Data protection policy

Data Protection
Trekkinthai.com takes its responsibilities with regard to the management of the requirements of the Data Protection Act 1998 very seriously. This document provides the policy framework through which effective management of Data Protection matters can be achieved.

1. Scope of the Policy
The purpose of this policy is to ensure that Trekkingthai.com staff and users comply with the provisions of the Data Protection Act 1998 when processing personal data. Any serious infringement of the Act will be treated seriously by us and may be considered under disciplinary procedures. We expects all of its staff and students to follow the ethical behaviours set out in the Nolan Principles. Those are: selflessness, integrity, objectivity, accountability, openness, honesty and leadership. These Principles underlie Our Ethical Framework and are incorporated into this policy.

This policy applies regardless of where the data is held, ie if it is held on personally-owned equipment or outside University property.

Trekkingthai.com is required to adhere to the eight principles of data protection as laid down by the Act. In accordance with those principles personal data shall be:

Processed fairly and lawfully
Processed for specified purposes only
Adequate, relevant and not excessive
Accurate and up to date
Not kept longer than necessary
Processed in accordance with data subjects’ rights
Processed and held securely
Not transferred outside the countries of the European Economic Area without adequate protection.

2. Responsibilities
[a] University responsibilities
As the Data Controller Trekkingthai.com is responsible for establishing policies and procedures in order to comply with the requirements of the Data Protection Act 1998.

[b] Governance Team responsibilities

The Governance Team holds responsibility for:

Site’s Data Protection notification. Details of Site’s notification are published on the Information Commissioner’s website. Anyone who is, or intends, processing personal data for purposes not included in the notification should seek advice from the Governance Team;
drawing up guidance, giving advice and promoting compliance with this policy in such a way as to ensure the easy, appropriate and timely retrieval of information;
the appropriate compliance with subject access rights and ensuring that data is released in accordance with subject access legislation under the Data Protection Act 1998;
ensuring that any data protection breaches are resolved, catalogued and reported appropriately in a swift manner and in line with guidance from the Information Commissioner’s Office;
investigating and responding to complaints regarding data protection including requests to cease processing personal data.
[c] Staff responsibilities

Staff members who process personal data about students, staff, applicants, alumni or any other individual must comply with the requirements of this policy.

Staff members must ensure that:

all personal data is kept securely;
no personal data is disclosed either verbally or in writing, accidentally or otherwise, to any unauthorised third party;
personal data is kept in accordance with our retention schedule;
any queries regarding data protection, including subject access requests and complaints, are promptly directed to the Governance Team;
any data protection breaches are swiftly brought to the attention of the Governance Team and that they support the Governance Team in resolving breaches;
where there is uncertainty around a Data Protection matter advice is sought from the Governance Team.
When members of staff are responsible for supervising students doing work which involves the processing of personal information(for example in research projects), they must ensure that those students are aware of the Data Protection Principles, in particular, the requirement to obtain the data subject’s consent where appropriate.

Staff who are unsure about who are the authorised third parties to whom they can legitimately disclose personal data should seek advice from the Governance Team.

[d] Third-Party Data Processors

Where external companies are used to process personal data on behalf of Trekkingthai.com, responsibility for the security and appropriate use of that data remains with Trekkingthai.com.

Where a third-party data processor is used:

a data processor must be chosen which provides sufficient guarantees about its security measures to protect the processing of personal data;
reasonable steps must be taken that such security measures are in place;
a written contract establishing what personal data will be processed and for what purpose must be set out;
a data processing agreement, available from the Governance Team, must be signed by both parties.
For further guidance about the use of third-party data processors please contact the Governance Team.

[e] Contractors, Short-Term and Voluntary Staff

Trekkingthai.com is responsible for the use made of personal data by anyone working on its behalf. Managers who employ contractors, short term or voluntary staff must ensure that they are appropriately vetted for the data they will be processing. In addition managers should ensure that:

any personal data collected or processed in the course of work undertaken for Trekkingthai.com is kept securely and confidentially;
all personal data is returned to Trekkingthai.com on completion of the work, including any copies that may have been made. Alternatively that the data is securely destroyed and Trekkingthai.com receives notification in this regard from the contractor or short term / voluntary member of staff;
Trekkingthai.com receives prior notification of any disclosure of personal data to any other organisation or any person who is not a direct employee of the contractor;
any personal data made available by Trekkingthai.com, or collected in the course of the work, is neither stored nor processed outside the UK unless written consent to do so has been received from Trekkingthai.com;
all practical and reasonable steps are taken to ensure that contractors, short term or voluntary staff do not have access to any personal data beyond what is essential for the work to be carried out properly.
[f] Student responsibilities

Students are responsible for:

familiarising themselves with the Data Protection Agreement provided when they register with Trekkingthai.com;
ensuring that their personal data provided to Trekkingthai.com is accurate and up to date.
3. Subject Access Requests
Trekkingthai.com is required to permit individuals to access their own personal data held by Trekkingthai.com via a subject access request. Any individual wishing to exercise this right should do so in writing to the Governance Team and a charge may be made for this request. A standard form is available from the Governance Team or on Trekkingthai.com’s data protection web pages.

Trekkingthai.com aims to comply with requests for access to personal information as quickly as possible, but will ensure that it is provided within the 40 calendar day limit set out in the Data Protection Act 1998.

Individuals will not be entitled to access information to which any of the exemptions in the Act applies. However, only those specific pieces of information to which the exemption applies will be withheld and determining the application of exemptions will be made by the Governance Team.

Trekkingthai.com currently charges £10 to make a subject access request.

4. Data Protection breaches
Where a Data Protection breach occurs, or is suspected, it should reported immediately in accordance with the Data Security Breach Incident Management Policy which states:

Confirmed or suspected data security breaches should be reported promptly to the IT Service Desk as the primary point of contact on 0115 95 16677, email: webmaster@trekkingthai.com. The report should include full and accurate details of the incident including who is reporting the incident and what classification of data is involved.

5. Contact
Queries regarding this policy or the Data Protection Act at large should be directed to the Governance Team at webmaster@trekkingthai.com

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